Mauritius Tax News

Orbitax

Mauritius Extends DMT Return and Payment Deadline

Orbitax

Mauritius Enacts 2025-2026 Budget Measures Including Global Minimum Tax, Alternative Minimum Tax, Fair Share Contribution, and Several Others

Orbitax

Mauritius and Rwanda Considering Tax Treaty Updates

Orbitax

Mauritius Reauthorizes Signing of New Tax Treaty with Botswana

Orbitax

UK Court of Appeals Holds Central Management and Control Test Not Suitable to Determine Place of Effective Management Under Mauritius-UK Tax Treaty

EY

EY Global Tax Controversy Flash Newsletter (Issue 83) | Navigating tax controversy: key implications of the budget reconciliation bill

Orbitax

Dutch Council of Ministers Authorizes Signing of Tax Treaty between Curacao and Mauritius

Pagero

Mauritius expands the scope of its e-invoicing obligation

Orbitax

Mauritius 2025-2026 Budget Delivered Including Global Minimum Tax, Alternative Minimum Tax, Fair Share Contribution, and Several Other Measures

EY

EY Global Tax Controversy Flash Newsletter (Issue 82) | What’s in the House tax bill and what it means for businesses

Orbitax

Mauritius Supreme Court Rules on Timing of Capital Allowance Deductions

EY

EY Global Tax Controversy Flash Newsletter (Issue 81) | Unilateral APAs may now be used to solve Cost Saving Arrangements disputes

Orbitax

Protocol to Tax Treaty between Jersey and Mauritius Signed

EY

Mauritius | Privy Council's Judicial Committee overturns Mauritius Supreme Court, holding partnership's repeated losses didn't preclude business purpose

Orbitax

French Supreme Administrative Court Rules on Interaction of CFC Rules and Tax Treaty with Mauritius

Orbitax

Mauritius Updates Lists of Reportable and Participating Jurisdictions for CRS

EY

EY Global Tax Controversy Flash Newsletter (Issue 79) | How increased global competition is reshaping tax priorities

Orbitax

Curacao Tax Treaty Negotiation Plan 2025

Orbitax

Curacao and Mauritius Conclude Tax Treaty Negotiations

EY

Mauritius Supreme Court reverses Assessment Review Committee decision to hold 80% of company's interest income was tax-exempt

EY

EY Global Tax Controversy Flash Newsletter (Issue 77) | Dispute resolution: OECD reports mixed results across APA and MAP programs globally

EY

EY Global Tax Controversy Flash Newsletter (Issue 76) | Joint and simultaneous tax audits: unexplored options for addressing double taxation

EY

EY Global Tax Controversy Flash Newsletter (Issue 75) | Growing government demands accelerate the need for tax transformation and integrated controversy management

EY

Mauritius and Bangladesh execute protocol amending tax treaty

Orbitax

OECD Releases Stage 1 Peer Review Reports on Dispute Resolution for 20 Jurisdictions

EY

EY Global Tax Controversy Flash Newsletter (Issue 73) | Recent developments reinforce importance of reviewing transfer pricing approach

Orbitax

Mauritius Publishes Synthesized Text of Tax Treaty with Tunisia

Orbitax

Mauritius 2024-2025 Budget Delivered Including New 2% Corporate Climate Responsibility Levy on Profits and Several Other Measures

EY

EY Global Tax Controversy Flash Newsletter (Issue 70) | UK releases new operational guidance on effective risk management in transfer pricing transactions

EY

EY Global Tax Controversy Flash Newsletter (Issue 69) | Looking for certainty amid tax policy transformation

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